Yeimane-Berhe v. John Ashcroft, 03-71246.

Decision Date23 December 2004
Docket NumberNo. 03-71246.,03-71246.
Citation393 F.3d 907
PartiesRahewa YEIMANE-BERHE, Petitioner, v. John ASHCROFT, Attorney General, Respondent.
CourtU.S. Court of Appeals — Ninth Circuit

Darío Aguirre, Aguirre & Cotman, San Diego, CA, for the petitioner.

Nancy E. Friedman, Civil Division, U.S. Department of Justice, Washington, DC, for the respondent.

On Petition for Review of an Order of the Board of Immigration Appeals. Agency No. A75-534-002.

Before REINHARDT, TASHIMA, and WARDLAW, Circuit Judges.

TASHIMA, Circuit Judge.

Rahewa Yeimane-Berhe, a native and citizen of Ethiopia, petitions for review of a decision of the Board of Immigration Appeals ("Board" or "BIA"), affirming a decision of the Immigration Judge ("IJ"), who denied her application for asylum, withholding of removal, and voluntary departure, and ordered her removed to Ethiopia. The IJ's decision was based on a finding that Yeimane-Berhe was not credible and did not have good moral character solely because she submitted a document that the IJ concluded was counterfeit. We have jurisdiction pursuant to 8 U.S.C. § 1252, and we grant the petition.

BACKGROUND

Yeimane-Berhe is an Ethiopian of the Amhara ethnicity. In July 1992, when Yeimane-Berhe was a university student, she joined the All Amhara People's Organization ("AAPO"), which is a group dedicated to the prevention of human rights abuses committed by the Ethiopian government against people of the Amhara ethnicity. As a member of the group, Yeimane-Berhe distributed flyers, held recruiting meetings, wrote slogans for demonstrations, and participated in protests against the government.

The AAPO attempted to hold a demonstration in 1993, but the government would not allow it. The group therefore held a rally to protest this decision, and government soldiers began firing at them and beating them with sticks and rifle butts. Yeimane-Berhe was among a group of people who were arrested, taken to the police station, and detained for a month. Yeimane-Berhe testified that conditions during her detention were not good; they were fed only once a day and were not permitted to use restrooms. When she was released, she was warned not to participate in the AAPO or she would be detained "for good."

Yeimane-Berhe continued her involvement in the AAPO. Around June 1994, soldiers disrupted an AAPO meeting that Yeimane-Berhe was attending. The soldiers pointed guns at the members and called them "dirty Amharas" and traitors. Yeimane-Berhe was arrested and held for six months. She was interrogated and beaten by soldiers approximately four or five times during her six-month detention. The soldiers asked her about her involvement in the AAPO and asked her for the names of other students, but she refused to answer their questions, other than to admit that she was a member of the group.

One night during her detention, Yeimane-Berhe was taken to the interrogation room and raped by a colonel. He pointed his pistol at her and threatened to kill her "just like he killed [her] friend" if she did not stop screaming and struggling. Yeimane-Berhe became depressed after being raped and eventually realized that she was pregnant. She asked her sister to bring her pills that were used to treat stomach infections and overdosed on them in an attempt to commit suicide. She subsequently suffered a miscarriage and was hospitalized. Yeimane-Berhe submitted into evidence a medical certificate from the hospital that her sister had obtained for her.

To secure release from the hospital, Yeimane-Berhe needed someone to sign a paper taking responsibility for her, to ensure that she would not "run away." Yeimane-Berhe's father asked Yeimane-Berhe's "uncle," a family friend, to sign the document because the person who signed the paper needed to own a house or other asset.

After her release from the hospital, Yeimane-Berhe's father obtained a student visa for her to enter the United States and sent her to live here in early 1995. Yeimane-Berhe's sister, Solome, who also had been involved in the AAPO, came to the United States in 1997.1 After Solome left Ethiopia, their father was questioned about Solome's whereabouts and ultimately was fired from his job.

In 1998, the Immigration and Naturalization Service ("INS")2 issued a Notice to Appear to Yeimane-Berhe, charging her with removability. Yeimane-Berhe conceded removability, but filed an application for asylum, withholding of removal, and voluntary departure.

At the hearing to consider her application, Yeimane-Berhe testified that she would "certainly" be imprisoned and likely killed if returned to Ethiopia because she had not been released from the prison, she was accused of serious charges, and her friend who had been imprisoned with her had been killed. Yeimane-Berhe submitted into evidence a document, dated June 1995, from The Federal's First Honorable Court of the Ethiopian Federal Democratic Republic. The document stated that, because Yeimane-Berhe had been "in need of serious medical care," she had been bailed out of prison on December 25, 1994, and transferred to a hospital, but that she had failed to appear for subsequent court appointments. The court therefore ordered the bailer to pay the court the bail money and ordered Yeimane-Berhe arrested.

Yeimane-Berhe's sister, Solome, also testified at Yeimane-Berhe's hearing. Solome's testimony regarding the events that happened to her sister was entirely consistent with her sister's testimony.3 As relevant to the IJ's credibility finding, Solome testified that she went to the hospital in 1997 to get Yeimane-Berhe's medical certificate because Yeimane-Berhe asked her to get a document from the hospital verifying her treatment there. Solome also testified that the government did not allow her to visit Yeimane-Berhe while she was in the hospital because of Solome's involvement in the AAPO, but that she had no trouble obtaining the certificate later because the hospital did not know about her activities with the AAPO and because several years had passed since her sister had been released from the hospital.

The INS submitted a report from its Forensic Document Laboratory that stated that the medical certificate was "not what it claims to be." This conclusion was based on the following: (1) the "`rubber stamp impression'" appeared to have been "carefully hand drawn" onto the page, "with multiple layers of ink creating a character or line," a feature that previously had been seen on counterfeit Ethiopian documents; and (2) the reproduction was poor, with excess toner that was "likely due to multiple generation copying."

The IJ relied on the INS's conclusion that the document was fraudulent to conclude that Yeimane-Berhe was not credible and that she accordingly had failed to establish that she was eligible for asylum. The IJ also thought it was unlikely that the hospital would have given Solome the document because the government did not allow her to visit Yeimane-Berhe during her stay in the hospital. Because the IJ concluded that Yeimane-Berhe was not eligible for asylum, she necessarily did not meet the more stringent standard of proof for withholding of removal. See Guo v. Ashcroft, 361 F.3d 1194, 1202 (9th Cir.2004) (stating that, "[t]o establish eligibility for withholding of removal, an applicant must meet `a more stringent' standard of proof than is required for asylum") (quoting Navas v. INS, 217 F.3d 646, 655 (9th Cir.2000)). The IJ also denied voluntary departure on the basis that the submission of an allegedly counterfeit document precluded a finding that Yeimane-Berhe was a person of good moral character.4 The IJ therefore ordered Yeimane-Berhe removed to Ethiopia.

On appeal, the Board stated that the IJ was in the best position to evaluate Yeimane-Berhe's credibility and therefore deferred to the IJ's credibility finding, agreeing that Yeimane-Berhe's submission of an allegedly fraudulent document supported the adverse credibility finding. The Board further reasoned that Yeimane-Berhe provided no explanation for the document and accordingly affirmed the IJ's decision. Yeimane-Berhe filed a timely petition for review.

STANDARD OF REVIEW

"We generally review only the BIA's credibility decision, but when the BIA incorporates the IJ's decision as its own, we treat the IJ's reasons as the BIA's" Wang He v. Ashcroft, 328 F.3d 593, 595-96 (9th Cir.2003) (citations omitted). Adverse credibility determinations are reviewed under the deferential substantial evidence standard. Singh v. Ashcroft, 367 F.3d 1139, 1143 (9th Cir.2004). Nonetheless, the BIA and "the IJ must provide specific, cogent reasons for reaching an adverse credibility determination, and minor inconsistencies or factual omissions that do not go to the heart of the asylum claim are insufficient to support it." Id. (citation omitted). "`[S]peculation and conjecture cannot form the basis of an adverse credibility finding, which must instead be based on substantial evidence.'" Wenda Ge v. Ashcroft, 367 F.3d 1121, 1124 (9th Cir.2004) (quoting Shah v. INS, 220 F.3d 1062, 1071 (9th Cir.2000)).

DISCUSSION

The IJ's adverse credibility finding was based solely on the INS Forensic Document Laboratory's conclusion that the medical certificate submitted by Yeimane-Berhe was fraudulent. The IJ reasoned that Yeimane-Berhe was attempting to "bolster her asylum claim by the use of counterfeited documents," rendering her not credible. The BIA similarly relied on the allegedly fraudulent document in affirming the IJ's decision.

The medical certificate deemed fraudulent by the INS is a certificate from the hospital where Yeimane-Berhe testified that she was treated, dated December 25, 1994. The certificate states that Yeimane-Berhe had bruises on her back and parts of her feet (ascribed to the torture), was raped, and had overdosed on Vermox. The doctor recommended "long rest" and that Yeimane-Berhe "[m]ust not go back to prison."

We have...

To continue reading

Request your trial
42 cases
  • Owino v. Holder
    • United States
    • U.S. Court of Appeals — Ninth Circuit
    • November 4, 2014
    ...arrest documents originally submitted were genuine and whether Owino reasonably believed them to be genuine. See Yeimane–Berhe v. Ashcroft, 393 F.3d 907, 911–12 (9th Cir.2004) (reversing adverse credibility determination based on the use of one allegedly fraudulent document where nothing in......
  • Owino v. Holder
    • United States
    • U.S. Court of Appeals — Ninth Circuit
    • November 4, 2014
    ...arrest documents originally submitted were genuine and whether Owino reasonably believed them to be genuine. See Yeimane–Berhe v. Ashcroft, 393 F.3d 907, 911–12 (9th Cir.2004) (reversing adverse credibility determination based on the use of one allegedly fraudulent document where nothing in......
  • Singh v. Gonzales
    • United States
    • U.S. Court of Appeals — Ninth Circuit
    • March 10, 2006
    ...the original document. However, an irregular translation cannot alone support an adverse credibility finding. See Yeimane-Berhe v. Ashcroft, 393 F.3d 907, 911 (9th Cir.2004) (even where an applicant submits a potentially fraudulent document that goes to the heart of the claim, it cannot sup......
  • Kumar v. Gonzales
    • United States
    • U.S. Court of Appeals — Ninth Circuit
    • January 23, 2006
    ...findings based upon forged documents, those findings have been supported by evidence from experts. See, e.g., Yeimane-Berhe v. Ashcroft, 393 F.3d 907, 910 (9th Cir.2004) (INS submitted a report from its forensic document laboratory stating that the medical certificate at issue was a forgery......
  • Request a trial to view additional results

VLEX uses login cookies to provide you with a better browsing experience. If you click on 'Accept' or continue browsing this site we consider that you accept our cookie policy. ACCEPT